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RoHS Article 4 (3): 'as soon as scientific evidence is available, and in ... (exceeding 2 %w/w Be) should be easily removable during dismantling of the EEE. ... – PowerPoint PPT presentation

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Title: Folie 1


1
Study on hazardous substances in electrical and
electronic equipment, not regulated by the RoHS
Directive
Expert Workshop Brussels 6 May 2008
2
Background and Objectives
  • RoHS Article 4 (3) as soon as scientific
    evidence is available, and in accordance with the
    principles on chemicals policy EU bodies shall
    decide on the prohibition of other hazardous
    substances and the substitution thereof by more
    environment-friendly alternatives which ensure at
    least the same level of protection for consumers
  • Study shall provide the necessary support to the
    Commission services by investigations on
  • Inventory of other hazardous substances in EEE
  • Risk management of hazardous substances
  • Possible Substitutes
  • Policy options for candidate substances

3
Inventory of hazardous substances in EEE
  • Information on hazardous substances in EEE
  • Identification of high priority substances
  • Allocation to electrical electronic components
  • Typical content of hazardous substances in
    components
  • Allocation to typical EEE products
  • Allocation to WEEE categories
  • Annual flow of hazardous substances in EEE

4
Criteria for selection of high priority
substances (I)
  • 1) Substances of very high concern (SVHC) as
    defined by REACH
  • Carcinogenic category 1 or 2
  • Mutagenic category 1 or 2
  • Toxic for Reproduction category 1 or 2 (CMR)
  • Persistent, Bioaccumulative Toxic (PBT)
  • very Persistent very Bioaccumulative (vPvB)
  • Endocrine Disrupters (ED)

5
Criteria for selection of high priority
substances (II)
  • 2) Substances found as contaminants in humans and
    biota raising concern regarding potential
    long-term harmful effects
  • 3) Substances forming hazardous substances during
    the collection and treatment of EEE (e.g. during
    incineration)

6
Criteria for selection of high priority
substances (III)
  • Substances which fulfil one of the criteria 1 3
    have potential to cause severe harm to humans
    and/or the environment
  • High priority substances

7
Criteria for selection of high priority
substances (IV)
  • Substances classified as dangerous according to
    Annex I of Directive 67/548, but not fulfilling
    criteria 1 3
  • and
  • Substances which are already regulated by
    existing legislation
  • have been documented but have not been further
    evaluated.

8
Risk management of high priority hazardous
substances
  • Exposure to humans and environment and resulting
    risks
  • Monitoring data in human, other biota and
    environmental media
  • Relevance of EEE with regard to total
    consumption
  • Availability of substitutes
  • Identification of substances that have major
    impacts on environment and human health by
    combination of intrinsic properties and exposure
  • ? Candidate substances for potential inclusion in
    RoHS

9
Proposed candidate substances for potential
inclusion in RoHS
10
Allocation of HS to electrical and electronic
components
11
Allocation to electrical and electronic components
12
Allocation of HS to electrical and electronic
componentsdata gaps
13
Allocation to (typical) EEE products
14
Allocation to (typical) EEE products data gaps
15
Allocation to WEEE categories
16
Possible substitution of candidate
substancesTBBP-A
Substitution of TBBP-A in printed circuit boards
(I) Substitution of TBBP-A by non-halogenated
reactive FR, e.g.- DOPO (Dihydrooxaphosphaphena
ntrene) and its derivates which are cyclic
hydrogenphosphinates - Poly(1,3-phenylene
methylphosphonate) in combination with
Aluminium-tri-hydroxide (ATH) or
Aluminium-oxide-hydroxide (AOH)
17
Possible substitution of candidate
substancesTBBP-A
  • Substitution of TBBP-A in printed circuit boards
    (II)
  • Substitution of TBBP-A by non-halogenated
    additive FR, e.g.
  • Metal phosphinates used in combination with
    N-synergist such as Melamine polyphosphate, with
    modified (phosphorus or nitrogen containing)
    epoxy resin or blend with other polymers
  • Metal hydroxides e.g. Aluminium Trihydroxide
    (ATH, Al(OH)3) Alumina monohydrate (AlOOH)

18
Possible substitution of candidate
substancesTBBP-A
  • Substitution of TBBP-A in printed circuit boards
    (III)
  • Use of inherently flame-retardant, halogen-free
    base materials
  • - Thermosetting plastics e.g. epoxy-novolac
    resins- Thermoplastic resins e.g. PEI
    (Polyether Imide) and PES (Polyethersulfone).

19
Possible substitution of candidate
substancesTBBP-A
  • Substitution of TBBP-A as additive FR in ABS used
    for electronic enclosures (I)
  • by phosphorous based flame retardants in
    combination with PC/ABS and PPE/HIPS blends
  • Tri-phenyl phosphate (TPP)
  • Resorcinol bis (diphenyl phosphate) (RDP)
  • Bis-phenol A bis(diphenyl phosphate) (BDP)

20
Possible substitution of candidate
substancesHBCDD
  • Substitution of HBCDD as additive FR in HIPS used
    for electronic enclosures / housings of EEE
  • by phosphorous based flame retardants in
    combination with PC/ABS and PPE/HIPS blends
  • Tri-phenyl phosphate (TPP)
  • Resorcinol bis (diphenyl phosphate) (RDP)
  • Bis-phenol A bis(diphenyl phosphate) (BDP)

21
Possible substitution of candidate
substancesDEHP, BBP and DBP (I)
  • Alternative plasticizers in PVC
  • adipates (esters of adipic acids mainly
    Diethylhexyl adipate (DEHA) and
    Di-isononyladipat (DINA)),
  • citrates (esters of citric acids mainly
    O-acetyl tributyl citrate (ATBC))
  • (organo)phosphates Di(2-ethylhexyl)phosphat,
    Tri(2-ehtylhexyl) phosphat
  • trimellitate Tri-2-ehtyl-trimellitate
  • epoxidised soybean oil

22
Possible substitution of candidate
substancesDEHP, BBP and DBP (II)
  • Alternative plastics showing elastic properties
    without addition of plasticizers
  • Polyethylene (PE)
  • Polypropylene (PP)
  • Polyurethane (mostly used as PVC substituting
    material in non EEE applications)
  • Ethyl-Vinylacetate-Copolymere (EVA)
  • ? For most of the flexible-PVC products
    alternatives free of plasticizers are available.

23
Possible substitution of candidate
substancesMCCP SCCP
Only limited information available on substitutes
for MCCP and SCCP. ? further research required
to identify suitable substitutes.
24
Possible substitution of candidate
substancesNonylphenol ethoxylates
  • already been replaced in many application
    areas.
  • reasonable to assume that for the remaining
    small-volume applications for EEE substitutes
    are available
  • additional information is required from the
    manufacturers.

25
Possible substitution of candidate
substancesOrganochlorine and organobromine
compounds
  • See substitutes proposed for TBBP-A and HBCDD.
  • Within this study not possible to analyse
    availability of substitutes for all
    organochlorine and organobromine compounds.
  • Several manufacturers of EEE intend to phase-out
    brominated flame retardants (BFR) and PVC in all
    their applications ? substitution of
    organohalogen compounds in EEE is possible

26
RoHS versus REACH RoHS and REACH !
RoHS Focus on hazardous substances in EEE as
defined in Dir 67/548/EEC REACH Registration,
evaluation, authorisation and restriction of
chemicals Broad scope, not focussing on specific
sectors REACH Authorisation related to
substances of very high concern 3 step
procedure Art. 57 / Annex 13 Definition of
substances of very high concern Art. 59
Candidate list Art.58 Priority setting for
inclusion of substances in Annex XIV. No
automatism of placing all SVHC into candidate
list / into Annex XIV Priority setting includes
PBT/vPvB criteria / wide dispersive use / high
production Volume chemicals REACH will consider
sector-specific regulations such as
RoHS Coexistence of REACH and RoHS.
27
Overview on possible policy options (outlined by
EU Commission)
  • Not add any new justified substances under RoHS
    and deal with them under REACH
  • Add new substances but only for certain
    categories of EEE in the scope of RoHS
  • Add new substances for all EEE, in the scope of
    RoHS but with exempted applications
  • Add new substances for all EEE without exemptions
    at a deferred date
  • Add new justified substances under RoHS only if
    substitutes already available and fully
    investigated
  • Link inclusion of substances at a given deadline
    (e.g. 2014) with the results of a report on the
    efficiency of waste (WEEE) management for
    removing hazardous substances from the waste
    stream
  • Not add any new substances but introduce
    labelling requirements (for example certain
    phthalates for certain Medical Devices)
  • Not add any new substances but introduce
    obligation for easy removability of parts
    containing hazardous substances

28
Proposed policy options for candidate substances
29
Proposed policy options for candidate substances
30
Further proposed policy options
  • For Be and BeO the following policy options are
    proposed to support the safe recycling of
    Be-containing EEE
  • Be and BeO containing EEE should be labelled
    exempted from this labelling requirement are
    Be-containing alloys with up to 2 w/w Be
  • Be and BeO containing parts (exceeding 2 w/w
    Be) should be easily removable during
    dismantling of the EEE.

31
Need for clarification
32
Central Questions for the discussion (I)
  • Substitution
  • Do alternative technologies and/or EEE exist
    without the proposed candidate substances? Status
    of research development. What is a feasible
    phase-out timeline?
  • Which effects does a restriction of hazardous
    substances have on innovation and research with
    regard to use of substitutes and/or alternative
    technologies?

33
Central Questions for the discussion (II)
  • Environmental and social impacts
  • What are the environmental (e.g. energy use,
    toxicity, impact on waste stream), health (e.g.
    occupational health) and / or consumer safety
    (e.g. emissions) impacts caused by substitution
    compared to the ones of the proposed candidates?

34
Central Questions for the discussion (III)
  • Economic impacts
  • Which costs will arise through the restriction of
    the proposed candidate substances in the supply
    chain both for industry and consumers?
  • Which advantages/disadvantages will the
    restriction of the proposed candidate substances
    have on the competitiveness of industry on the
    internal and external market?

35
Central Questions for the discussion (IV)
  • Enforcement
  • Practical workability and enforceability of
    restrictions?
  • What are the administrative costs to enforce the
    restrictions?

36
Further proceeding
  • Clarification of open points
  • Incorporation of results of expert workshop in
    draft final report
  • Deadline for submission of additional information
    by experts20 May 2008
  • ? Final report 4 June 2008
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